Attachment EchoSTA

This document pretains to SAT-STA-20040206-00080 for Special Temporal Authority on a Satellite Space Stations filing.

IBFS_SATSTA2004020600080_368845

                                    Before the
                                                                                     ORIGINAL
                      FEDERAL COMMUNICATIONS COMMISSION
                               Washington, DC 20554




In the Matter of                              )

EchoStar Satellite L.L.C.                                     File No.
                                              )
Application for Renewal of Special
Temporary Authority to Operate                )
EchoStar IV at the 157” W.L. Orbital
Location on Alternative Channels              1


                    REQUEST OF ECHOSTAR SATELLITE L.L.C.
               FOR RENEWAL OF SPECIAL TEMPORARY AUTHORITY


               Pursuant to Section 309 of the Communications Act of 1934, as amended, 47

U.S.C. 0 309, EchoStar Satellite L.L.C. (“Echostar”) hereby requests renewal of its Special

Temporary Authority (“STA”) to operate the EchoStar IV satellite at the 157” W.L. orbital

location over channels 7 and 11, instead of the licensed channels 3 and 5 for up to 180 days,

pending the approval of EchoStar’s pending application requesting the same permanent

operational authority. As discussed below, grant of this renewal STA application is necessary to

permit EchoStar IV to operate on three channels at the 157” W.L. orbit location, and would

strongly serve the public interest. Simply stated, subsequent to being assigned channels 1, 3 and

5 , EchoStar has determined that its ailing EchoStar IV satellite cannot operate on all three of the

assigned channels simultaneously. On December 10,2003, the Commission granted EchoStar’s

request to operate the EchoStar 4 satellite at 157 W.L. using channels 7 and 11 (instead of the


licensed channels 3 and 5 ) subject to conditions for 60 days.’ This authorization expires on

February 15,2004. No one else is providing DBS service from 157” W.L. at present. Since the

total number of channels will be the same, the grant of this request for renewal of STA will not

prejudice any other company interested in operating at that location in the future.

I.     BACKGROUND

                In August 1989, the Commission granted EchoStar authority to construct a DBS

system that would use 11 “eastern” and 11 “western” channels. Under the process that applied at

the time, the assignment of specific channels was subject to the first prong of due diligence -

completion of contracting. While the Commission assigned 11 specific eastern channels (at 119”

W.L.) to EchoStar in 1992, it required EchoStar to submit additional information regarding its

contract for western channels and the question remained outstanding for over a decade.2

                In May 2002, the Commission found that EchoStar had satisfied the first prong of

due diligence for the 11 western channels, and gave EchoStar 10 days to specify its preferred

channel assignments at one western orbit location3 On May 28, 2002, EchoStar submitted a

letter notifying the Commission of its selection of the odd-numbered Channels 1-21 at the 157”

W.L. orbit location as the channel assignment for its western DBS permit and providing the




       1
           See File No. SAT-STA-20030903-00301 (granted Dec. 10,2003) (Exhibit 1).
       2
         See EchoStar Satellite Corporation,Assignment of Direct Broadcast Satellite Orbital
Positions and Channels, 7 FCC Rcd. 1765, 1771 (1992) (stating that a western orbit position and
channel assignment cannot be made to EchoStar at this time and affording EchoStar additional
time to demonstrate due diligence with regard to its proposed western satellite).
         See EchoStar Satellite Corporation for Assignment of Direct Broadcast Satellite Orbital
Position and Channels, Memorandum Opinion and Order, File No. DBS-88-01, DA 02-1 163
(Sat. Div., Int’l Bur.) (rel. May 16, 2002); see id. at 77 7, 10.



                                               -2-


rationale for its ~election.~
                           Notwithstanding this selection, the Commission directed EchoStar to

select one of its original orbital locations, either 148" W.L. or 175" W.L.5 In response, EchoStar

requested the use of eight remaining channels at 148" W.L., which it had previously been using

pursuant STA.6 EchoStar subsequently requested authority to operate its three remaining

western channels at the 157" W.L. orbital location using the EchoStar IV satellite, which is not

operating at full capacity because of several transponder an~malies.~

                 On May 7,2003, the Commission authorized EchoStar to operate EchoStar IV at

the 157" W.L. orbital location over channels 1 , 3 and 5.' The Commission afforded EchoStar

120 days "to move EchoStar 4 from the 119" W.L. orbital location to the 157" W.L. orbital

location," and required EchoStar to notify the Commission within 10 days of the relocation.'


          See Letter from Pantelis Michalopoulos and Carlos M. Nalda, Counsel for EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(May 28,2002). In June 1998, DIRECTV Enterprises, Inc. surrendered its 27 western channel
assignments at the 157" W.L. orbital location. See Letter from Gary M. Epstein, Counsel for
DIRECTV Enterprises, Inc. to Regina Keeney, Chief, International Bureau, Federal
Communications Commission (May 22, 1998).
       5
       See Letter from Cassandra C. Thomas, Deputy Chief, Satellite Division, to Pantelis
Michalopoulos, Counsel for EchoStar Satellite Corporation (December 24,2002).
          See Letter from David R. Goodfriend, Director, Legal and Business Affairs, EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(Jan. 3,2003). EchoStar separately filed an application for review of the decision directing
EchoStar to select one of its original orbit locations, either 148" W.L. or 175" W.L., which would
have deprived EchoStar of three of its western channels. See EchoStar Satellite Corporation,
Application for Review (Jan. 23,2003).
          See Letter from David R. Goodfriend, Director, Legal and Business Affairs, EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(Feb. 11,2003).
       ' See EchoStar Satellite Corporationfor Assignment of Direct Broadcast Satellite Orbital
Position and Channels, Order, File No. DBS-88-01, DA 03-1510 (Sat. Div., Int'l Bur.) (rel. May
7,2003).
           See id., 7 12.



                                               -3-


The EchoStar IV satellite was duly relocated to the 157" W.L. orbit location on July 22,2003,

well within the time frame required by the Commission, and EchoStar has timely notified the

Commission of this relocation.

                 Since EchoStar IV's relocation to 157" W.L., it has become apparent that the

satellite cannot operate simultaneously on all three of the channels that were assigned to

EchoStar at that location. Based on a detailed analysis of remaining operational amplifiers and

switching constraints, it is clear that the transponders associated with the assigned frequencies

are not sustainable. For example, with respect to channel 5 , all three available redundant TWT

paths have failed and there is insufficient input/output switching available to use other TWTs for

that channel. However, because other transponders on the satellite remain functional, EchoStar

IV is capable of providing DBS service on other channels. On September 3,2003, EchoStar
filed an application requesting STA to operate over channels 7 and 11, instead of the licensed

channels 3 and 5 at the 157" W.L. orbital location." On December 10,2003, the Commission

granted EchoStar the requested STA. The STA expires on February 15,2004.


11.    GRANT OF ECHOSTAR'S REQUEST FOR SPECIAL TEMPORARY
       AUTHORITY WILL NOT CAUSE ANY HARMFUL INTERFERENCE AND
       WILL SERVE THE PUBLIC INTEREST

                 The Commission has a long-standing policy of granting Special Temporary

Authority where such authorization will not cause harmful interference and will serve the public

interest, convenience and necessity. See, e.g., In the Matter of American Telephone & Telegraph

Company, 8 FCC Rcd. 8742, 8742 (1993) ("Granting the AT&T request will serve the public

interest, convenience and necessity . . . [It] will allow AT&T to continue to provide service to its

       lo   See supra note 1.



                                                -4-


TELSTAR 301 customers while ensuring that TELSTAR 301 is fully operational before it is

placed into service.”); see also In the Matter of Hughes Communications Galaxy, Inc., 10 FCC

Rcd. 11024, 11024 (1995) (“Grant of this modification will provide an opportunity for the public

to continue receiving services from Galaxy I11 . . . grant of Hughes’s application will serve the

public interest, convenience and necessity.”); In the Matter of Columbia Communications

Corporation, 11 FCC Rcd. 8639, 8640 (1996) (“Granting Columbia’s request, subject to a non-

interference condition, will serve the public interest, convenience and necessity. . . [It] presents

Columbia with an opportunity to provide immediate interim service . . . reliev[ing] the present

shortage of U.S. domestic and transAtlantic C-band capacity and also allow[ing] Columbia to

provide expanded service options to new and existing customers.”); In the Matter of the

Applications of Newcomb Communications, Inc., 8 FCC Rcd. 363 1,3633 (1993).

               EchoStar is the only entity authorized to conduct DBS operations from the 157”

W.L. orbit location. Thus, the requested renewal of STA will not cause any harmfbl interference

to any authorized user of the spectrum. In addition, permitting EchoStar IV to use alternative

channels at 157”W.L. pursuant to STA will allow EchoStar to continue using the total number of

licensed channels at that location, to the benefit of U.S. consumers. Conversely, without the

renewal of authority requested here, EchoStar would have to operate over fewer channels than

the number licensed. Thus, the requested renewal of STA will enable EchoStar to provide more

services to its customers (up to the number of licensed channels) than would otherwise be the

case, including pay-per-view, international, business television and other specialized services.

               Rather than limiting EchoStar to its original channel assignment and effectively

precluding the use of two-thirds of Echostar’s assigned spectrum at the 157”W.L. orbital

location, the public would be best served by allowing the EchoStar IV satellite to continue


                                                -5-


operating on a temporary basis over alternative channels that it can actually utilize. At the same

time, because the total number of channels to be temporarily used at that location remains the

same (and, indeed, EchoStar is requesting the substitution of odd-numbered channels for other

odd-numbered channels), this request creates no prejudice whatsoever for other companies

interested in operating at the 157" W.L. orbital location in the future. For all of these reasons,

grant of the instant STA renewal request would strongly serve the public interest.

111.    SECTION 304 WAIVER

               In accordance with Section 304 of the Communications Act of 1934,47 U.S.C.

0 304, EchoStar hereby waives any claim to the use of any particular frequency or of the
electromagnetic spectrum because of the previous use of the same, whether by license or

otherwise.

IV.    CONCLUSION

               For the foregoing reasons, EchoStar hereby respectfully requests renewal of its

Special Temporary Authority to operate the EchoStar IV satellite using channels 7 and 11,

instead channels 3 and 5 licensed to EchoStar at the 157" W.L. orbit location.




                                                -6-


                                    Respectfully submitted,


                                    EchoStar Satellite   ue



                                    DavidK. osko itz
                                                      .q!L!L
                                    Senior Vice                Counsel

                                    Englewood, CO      80112
                                    (303) 723-1001)



Dated:   F e b r u a r y 6 , 2004


                     ANTI-DRUG ABUSE ACT CERTIFICATION


                Pursuant to Section 1.2002 of the Commission’s Rules, 47 C.F.R. Section

1.2002 (1997), Applicant certifies that neither Applicant nor any of its shareholders, nor

any of its officers or directors, nor any party to this Application, are subject to a denial of

Federal benefits pursuant to authority granted in Section 5301 of the Anti-Drug Abuse

Act of 1988.



                                               Respectfully submitted,

                                               EchoStar Satellite LLC




                                               Senior Vice President and Gkneral Counsel
                                               EchoStar Satellite LLC
                                               9601 S. Mez;i&an Boulevard
                                               Englewood, CO 80112
                                               (303) 723-1000



Dated:    F e b r u a r y 6 , 2004


EXHIBIT 1


.     .                          I   .    .     .   - .-       .   ..          . . .. . .   .       .   ..   .


                                                                                                                      1338 Connecticut&onnr, NW
I SXEPTOE &JOHNSON
I          -      LLP I                                                 I
                                                                                                                      Warbilgto2 DC 2ooJc-1795

                       ATTORNEYS AT U W


    Pantelis Michalopoulos
    202.429.6484
    prnichalo@steptoe.com


                                                           September 3,2003

    VIA HAND DELIVERY

    Marlene H. Dortch
    Secretary
    Federal CommunicationsCommission
    International Bureau - Satellites
    P.O. Box 358210
    Pittsburgh, PA 15251-5210
                                                                                                                                                  --
              Re:      Request of EchoStar Satellite Corporation for Special Temporary
                       Authority to Operate EchoStar IV at the 157' W.L. Orbital Location
                       On Alternative Channels; File No.

    Dear Ms. Dortch:

                       On behalf of EchoStar Satellite Corporation ("EchoStar"), enclosed please find
    for filing an original and nine copies of an application for Special Temporary Authority to
    operate the EchoStar IV satellite on alternative channels at the 157" W.L.orbital location. Also
    enclosed is a check in the amount of $145.00 for the applicable filing fee, a completed FCC
    Form 159, and an additional copy, which we ask you to date stamp and return with our
    messenger.

                       Please do not hesitak to contact me should you have any questions.

                                                                            Respectfully submitted,



                                                                            Pantelis Michalopoulos
                                                                            Counselfor EchoStar Satellite Corporation
                                                           b                                    *

    Enclosures
                                                                                                piko 5m-Srq -aoC3c39a3-0&
                                                                                                'd**                                                   I,.

    cc:      Jennifer Gilsenan                                                                      (OrOthCf&UifiW)
             Selina Khan
             FCC Columbia Operations Ce




          WASHINGTON                          PHOENIX                                       LOS ANGELES                          LONDON


                                                 Before the
                          FEDERAL COMMUNICATIONS COMMISSION
                                   Washington, DC 20554


    ~




                                                   1
    In the Matter of                               )
                                                   1
    EchoStar Satellite Corporation                 1               File No.
                                                   1
    Application for Special Temporary              1
    Authority to Operate EchoStar IV               1
    at the 157” W.L.Orbital Location               1
    on Altemative Channels                         1


                       REQUEST OF ECHOSTAR SATELLITE CORPORATION
                             FOR SPECIAL TEMPORARY AUTHORITY

                    Pursuant to Section 309 of the Communications Act of 1934, as amended, 47

    U.S.C.0 309, EchoStar Satellite Corporation (“EchoStar”) hereby requests Special Temporary
    Authority (“STA”) to operate the EchoStar IV satellite at 157” W.L.over channels 7 and 11

    instead of the licensed channels 3 and 5 for up to 180 days. As discussed below, grant of the

    STA is necessary to permit EchoStar IV to operate on three channels at the 157” W.L.orbit

    location, and would strongly serve the public interest. Simply stated, subsequent to being

    assigned channels 1,3 and 5, EchoStar has determined that its ailing EchoStar IV satellite cannot
B
    operate on all three of the assigned channels simultaneously, and the only logical combinations

    of channels that will allow EchoStar to use a total of three channels, with at least one of which

    being an assigned channel, at that slot are: (a) 1,7 and 11; (b) 1, 15 and 19; or (c) 3,7 and 11.

    No one else is providing DBS service fiom 157’ W.L.at present. Since the total number of


 channels will be the same, the grant of this request will not prejudice any other company

 interested in operating at that location in the future.

 I.     BACKGROUND
                In August 1989, the Commission granted EchoStar authority to construct a DBS

 system that would use 11 “eastern’yand 11 “western” channels. Under the process that applied at

 the time, the assignment of specific channels was subject to the first prong of due diligence -

 completion of contracting. While the Commission assigned 11 specific eastern channels (at 119O

 W.L.) to EchoStar in 1992, it required EchoStar to submit additional information regarding its

 contract for western channels and the question remained outstanding for over a decade.

                In May 2002, the Commission found that EchoStar had satisfied the first prong of

 due diligence for the 11 western channels, and gave Echostar 10 days to specify its preferred

channel assignments at one western orbit location.2 On May 28,2002, EchoStar submitted a

letter notifying the Commission of its selection of the odd-numbered Channels 1-2 1 at the 157”

W.L. orbit location as the channel assignment for its western DBS pennit and providing the

rationale for its selection? Notwithstanding this selection, the Commission directed EchoStar to

         See Echostar Satellite Corporation,Assignment of Direct Broakast Satellite Orbital
Positions and Channels, 7 FCC Rcd. 1765,1771 (1 992) (stating that a western orbit position and
channel assignment cannot be made to EchoStar at this time and affording Echostar additional
time to demonstrate due diligence with regard to its proposed western satellite).
         See EchoStar Satellite Corporationfor Assignment of Direct Broadcast Satellite Orbital
Position and Channels,Memorandum Opinion and Order, File No. DBS-88-01,DA 02- 1163
(Sat. Div., Int’l Bur.) (rel. May 16,2002); see id at 7, 10.
          See Letter from Pantelis Michalopoulos and Carlos M. Nalda, Counsel for EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(May 28,2002). In June 1998, DIRECTV Enterprises, Inc. surrendered its 27 western channel
assignments at the 157” W.L. orbital location. See Letter from Gary M. Epstein, Counsel for
DIRECTV Enterprises, Inc. to Regina Keeney, Chief, International Bureau, Federal
Communications Commission (May 22, 1998).



                                                -2-


 select one of its original orbital locations, either 148" W.L. or 175' W.L!   In response, EchoStar

 requested the use of eight remaining channels at 148" W.L., which it had previously been using

 pursuant STA.' EchoStar subsequently requested authority to operate its three remaining

 western channels at the 157" W.L. orbital location using the EchoStar N satellite, which is not

 operating at full capacity because of several transponder anomalies?

                  On May 7,2003, the Commission authorized EchoStar to operate EchoStar IV at

 the 157" W.L. orbital location over channels 1,3 and 5.7 The Commission afforded EchoStar

 120 days "to move Echostar 4 fiom the 1190 W.L. orbital location to the 157" W.L.orbital

 location," and required EchoStar to notify the Commission within 10 days of the relocation.8

 The EchoStar IV satellite was duly relocated to the 157" W.L. orbit location on July 22,2003,

well within the time fiame required by the Commission, and EchoStar has timely notified the

Commission ofthis relocation.




          See Letter fiom Cassandra C.Thomas, Deputy Chief, Satellite Division, to Pantelis
Michalopoulos, Counsel for Echostar Satellite Corporation (December 24,2002).
        ' See Letter fiom David R. Goodfiiend, Director, Legal and Business M a i r s , EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(Jan. 3,2003). EchoStar separately filed an application for review of the decision directing
Echostar to select one of its original orbit locations, either 148" W.L. or 175" W.L.,
                                                                                     which would
have deprived EchoStar of three of its western channels. See EchoStar Satellite Corporation,
Application for Review (Jan. 23,2003).
        'See Letter fiom David R. Goodfriend, Director, Legal and Business Affairs, EchoStar
Satellite Corporation to Marlene H. Dortch, Secretary, Federal Communications Commission
(Feb. 11,2003).
         See EchoStar Satellite Corporationf o t Assignment of Direct Broadcast Satellite Orbital
Position and Channels, Order, File No. DBS-88-01, DA 03-15 10 (Sat. Div., Int'l Bur.)(rel. May
7,2003).
       ' S e e i d , T 12.



                                                -3-


                Since Echostar IV’s relocation to 1570 W.L.,it has become apparent that the

 satellite cannot operate simultaneously on all three of the channels that were assigned to

 Echostar at that location. Based on a detailed analysis of remaining operational amplifiers and

 switching constraints, it is clear that the transponders associated with the assigned frequencies

 are not sustainable. For example, with respect to channel 5, alt three available redundant TWT

 paths have failed and there is insufficient inputloutput switching available to use other TWTs for

 that channel. However’ because other transponders on the satellite remain functional, Echostar

 IV is capable of providing DBS service on other channels. Specifically, there am only three
 logical combinations of channels that will allow EchoStar to use a total of three channels at that

 slot with at least one of which being an assigned channel: (a) 1,7, and 11; (b) 1,15 and 19; or (c)

 3’7,and 11. Thus, Echostar seeks an STA to operate over two channels other than those
 initially assigned to Echostar at the 157’ W.L. orbital location.


11.     GRANT OF ECHOSTAR’S REQUEST FOR SPECIAL TEMPORARY
        AUTHORITY WILL NOT CAUSE ANY HARMFUL INTERFERENCE AND
        WILL SERVE THE PUBLIC INTEREST
                The Commission has a long-standing policy of granting Special Temporary

Authority where such authorization will not cause harmful interference and will serve the public

interest, convenience and necessity. See, e.g., In the Matter of American Telephone & Telegraph

Company, 8 FCC Rcd. 8742,8742 (1 993)(“Granting the AT&T request will serve the public

interest, convenience and necessity. . . [It] will allow AT&T to continue to provide service to its

TELSTAR 301 customers while ensuring that TELSTAR 301 is fully operational before it is
placed into service.’’); see also In the Matter of Hughes Communications G a l q , Inc., 10 FCC

Rcd. 11024,11024 (1 995) (“Grant of this modification will provide an opportunity for the public

to continue receiving services from Galaxy 111 . . . grant of Hughes’s application will serve the


                                               -4-


 public interest, convenience and necessity.”); In the Mutter of Columbia Communications

 Corporation, 11 FCC Rcd. 8639,8640(1996) (“Granting Columbia’s request, subject to a non-

 interference condition, will serve the public interest, convenience and necessity. . . pt] presents

 Columbia with an opportunity to provide immediate interim service .    . .reliev[ing] the present
 shortage of U.S.domestic and transAtlantic C-band capacity and also allow[ingJ Columbia to

provide expanded service options to new and existing customers.”); In the Matter of the

Applications of Newcomb Communications, Inc., 8 FCC Red. 363 1,3633 (1993).

                EchoStar is the only entity authorized to conduct DBS operations from the 1570

 W.L.orbit location. Thus,the requested STA will not cause any harmfbl interference to any
authorized user of the spectrum.

                Permitting EchoStar N to use alternative channels at 157” W.L.pursuant to STA

also will allow EchoStar to use the total number of licensed channels at that location, to the

benefit of U.S.consumers. Conversely, without the authority requested here, EchoStar would

have to operate over fewer channels than the number licensed. Thus, the requested STA will

enable EchoStar to provide more services to its customers (up to the number of licensed

channels) than would otherwise be the case, including pay-per-view, international, business

television and other specialized services. Rather than limiting Echostar to its original channel

assignment and effectively precluding the use of two-thirds of Echostar’s assigned spectrum at

        the public would be best served by allowing the EchoStar IV satellite to operate on a
157”W.L.,

temporary basis over alternative channels that it can actually utilize. At the same time, because

the total number of channels to be temporarily used at that location remains the same (and,

indeed, EchoStar is requesting the substitution of odd-numbered channels for other odd-




                                               -5-


numbered channels), this request creates no prejudice whatsoever for other companies interested

in operating at the 157' W.L.orbital location in the fbture.

                   For all of these reasons, grant of the instant STA request would strongly serve the

public interest.

III.    SECTION 304 WAIVER
               In accordance with Section 304 of the Communications Act of 1934,47 U.S.C.

5 304, EchoStar hereby waives any claim to the use of any particular frequency or of the
electromagnetic spectrum because of the previous use of the same, whether by license or

OthelWiSe.


N. CONCLUSION
               For the foregoing reasons, EchoStar hereby respectfidly requests Special

Temporary Authority to operate the EchoStar IV satellite using channels 7 and 11,or

alternatively channels 15 and 19, instead of two of the channels licensed to EchoStar at the 157"

W.L. orbit location.




                                                 -6-


                                    Respectfully submitted,


                                    EchoStar Satellite Corporation




                                    Senior Vice President and &ad Counsel
                                    EchoStar Satellite Corporatlon
                                    5701 South Santa Fe
                                    Littleton, CO 80120
                                    (303) 723-1000



Dated: S e p t e m b e r 3 , 2003


                    ANTI-DRUG ABUSE ACT CERTIFICATION


               Pursuant to Section 1.2002 of the Commission’s Rules, 47 C.F.R. Section

1.2002 (1997), Applicant certifies that neither Applicant nor any of its shareholders, nor

any of its officers or directors, nor any party to this Application, are subject to a denial of

Federal benefits pursuant to authority granted in Section 5301 of the Anti-Drug Abuse

Act of 1988.



                                               Respectfully submitted,

                                               EchoStar Satellite Corporation




                                               Senior Vice President and Gderal Counsel
                                               EchoStar Satellite Corporation
                                               5701 South Santa Fe
                                               Littleton, CO 80120
                                               (303) 723-LOO0



Dated: September 3 , 2003




                                                                               a


                                    DECLARATION


               I, David K. Moskowitz, hereby declare under penalty of perjury that the

foregoing is true and correct to the best of my knowledge, information and belief.




                                            D&d K. Mo/Sbowdz           //
                                            Senior Vice President and 6eneral Counsel
                                            JkhoStar Satellite Corporation
                                            5701 South Santa Fe
                                            Littleton, CO 80120
                                            (303) 723-1000



Dated: September 3 , 2003



Document Created: 2004-04-12 14:43:03
Document Modified: 2004-04-12 14:43:03

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC